ToadKing
Illegal Lawyer
- Joined
- Apr 4, 2025
- Messages
- 273
- Thread Author
- #1
Case Filing
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
ToadKing
Plaintiff
v.
StateStreet
Defendant
COMPLAINT
The Plaintiff complains against the Defendants as follows:
The Defendant breached a valid contract with the Plaintiff by failing to process a lawful withdrawal request for funds deposited in the Plaintiff's StateStreet Savings Account, in direct violation of Section 4 of the StateStreet Savings Account Contract, constituting Breach of Contract under Section 7 of the Contracts Act.
I. PARTIES
1. ToadKing2. StateStreet
3. JediAJMan (Owner of StateStreet)
II. FACTS
1. StateStreet is an in-game company owned by JediAJMan. (P-001)2. StateStreet does not maintain an active Company Docket in the Company Registry. (P-002)
3. Pursuant to Section 10 of the Legal Entity Act, an in-game company without an associated Incorporated Entity is classified as a sole proprietorship.
4. StateStreet is registered as a tax-exempt financial institution. (P-003)
5. On 12 August 2025, the Plaintiff opened a StateStreet Savings Account and executed the StateStreet Savings Account Contract with the Defendant. (P-004)
6. On the same date, the Plaintiff deposited a total of $1,000,500 into StateStreet, comprising $1,000,000 as a deposit and $500 as the one-time Account Setup Fee. (P-005)
7. Section 4 of the StateStreet Savings Account Contract states: "Withdrawals can be made at any time but may be subject to a maximum daily withdrawal limit in periods of high transaction volume or financial instability."
8. Section 4 further provides that a minimum of $15,000 must be kept in the account.
9. On 20 October 2025, the Plaintiff submitted a written withdrawal request to StateStreet via direct message on the DC forums, requesting the withdrawal of $900,000 from the Plaintiff's account. (P-006)
10. The withdrawal request of $900,000 was within the permissible withdrawal amount, leaving a balance of $100,000 in the account.
11. As of the date of this Complaint, a period of 57 days has elapsed since the withdrawal request was submitted.
12. The Defendant has not responded to the withdrawal request.
13. The Defendant has not processed the withdrawal or returned any portion of the Plaintiff's funds.
14. For 57 days, Defendant has maintained enough money to process Plaintiff's withdrawal request.
15. JediAJMan, the owner of StateStreet, has been permanently deported from the Commonwealth of Redmont. (P-007)
16. Pursuant to Section 10(3) of the Legal Entity Act, all assets and liabilities of a sole proprietorship are regarded as assets and liabilities of the owner.
17. Pursuant to Section 10(4) of the Legal Entity Act, sole proprietorships shall not have any liability or bankruptcy protection.
III. CLAIMS FOR RELIEF
Section 7 of the Contracts Act states:The Defendant breached the StateStreet Savings Account Contract under Section 7 of the Contracts Act by:7 - Breach of Contract
(1) A breach of contract occurs when a party fails to fulfil its contractual obligations.
(a) Remedies for breach may include damages, specific performance, or other equitable relief.
- Failing to process the Plaintiff's lawful withdrawal request submitted on 20 October 2025, in direct violation of Section 4 of the Contract, which guarantees that withdrawals can be made "at any time".
- Failing to respond to or acknowledge the Plaintiff's withdrawal request for a period exceeding 57 days.
- Retaining the Plaintiff's deposited funds of $1,000,000 without lawful justification.
JediAJMan, as the owner of StateStreet (a sole proprietorship), is personally liable for all obligations of StateStreet, including the return of the Plaintiff's deposited funds.10 - Sole Proprietorship
(1) Sole proprietorships shall be the in-game companies without an associated Incorporated Entity
(2) Sole proprietorships shall still be regarded as a legal entity
(3) All assets and liabilities of the sole proprietorship shall be regarded as assets and liabilities of the owner of the sole proprietorship
(4) Sole proprietorships shall not have any liability or bankruptcy protection
(5) The director of a sole proprietorship shall always be the owner of the in-game company
IV. PRAYER FOR RELIEF
The Plaintiff respectfully requests that this Court grant the following relief:1. A Court Order immediately transferring $1,000,000 from StateStreet (or from JediAJMan's personal assets as the personally liable owner of the sole proprietorship) to the Plaintiff, representing the full value of the Plaintiff's deposited funds.
EVIDENCE
By making this submission, I agree I understand the penalties of lying in court and the fact that I am subject to perjury should I knowingly make a false statement in court.
DATED: This 16th day of December 2025
Motion
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
MOTION FOR DEFAULT JUDGEMENT
The Plaintiff moves this Court to enter Default Judgment against the Defendant.
1. JediAJMan, the owner of StateStreet, has been permanently deported from the Commonwealth of Redmont (P-005)
2. Permanently deported individuals do not possess legal standing or rights.
3. StateStreet, as a sole proprietorship owned by JediAJMan, cannot be represented independently of its owner pursuant to Section 10 of the Legal Entity Act.
The Plaintiff respectfully requests that this Court grant the full prayer for relief, noting that this same Court granted full prayers in a similar permanent deportation case - Fish's Financial LLC v. .AstuteSundew823 [2025] FCR 122